Explicit Consents & Waivers
Explicit Consents & Waivers
Explicit Consents
PLATFORM
PIC - Prior Informed Consent Regulation
Public details of explicit consent requests or waivers made under the PIC Regulation
Request/Proposal | Response Date | Status | ||||
---|---|---|---|---|---|---|
Azote
Alias
|
France | Chile | Consent | 1 |
Tue Jun 11 00:00:00 EEST 2019 |
Accepted |
B8300
Alias
|
Germany | Hong Kong, China | Consent | 1 |
Mon Mar 30 00:00:00 EEST 2015 |
Accepted |
B8300
Alias
|
Germany | Egypt | Consent | 1 |
|
Pending |
B8300
Alias
|
Germany | Venezuela, Bolivarian Republic of | Consent | 1 |
Mon May 25 00:00:00 EEST 2015 |
Rejected |
Bacara Forte SC360; DFF+FFA+FLT SC 120+120+120
Alias
|
France | Chile | Consent | 1 |
Fri Oct 16 00:00:00 EEST 2020 Tue Nov 17 00:00:00 EET 2020 |
Rejected Accepted |
Bacara Forte SC360; DFF+FFA+FLT SC 120+120+120
Alias
|
France | Chile | Consent | 1 |
Wed Dec 09 00:00:00 EET 2020 |
Accepted |
Bacara Forte SC360; DFF+FFA+FLT SC 120+120+120
Alias
|
France | China | Consent | 1 |
|
Pending |
Bacara Forte SC360; DFF+FFA+FLT SC 120+120+120
Alias
|
France | China | Waiver | - |
|
Accepted |
BAK0000341-EPIKURE(TM) Curing Agent RIMH 233 - AIH
Alias
|
Netherlands | Canada | Consent | 1 |
Mon Dec 12 00:00:00 EET 2022 |
Accepted |
BAKALA 500 SC
Alias
|
Spain | Morocco | Consent | 1 |
Thu Aug 20 00:00:00 EEST 2020 |
Accepted |
Balear 50 % SC
Alias
|
Belgium | Egypt | Consent | 1 |
|
Pending |
Balear 50 % SC
Alias
|
Belgium | Jordan | Consent | 1 |
Thu Aug 27 00:00:00 EEST 2020 |
Accepted |
Balear 50 % SC
Alias
|
Belgium | Egypt | Consent | 1 |
|
Pending |
Balear 50 % SC
Alias
|
Belgium | Jordan | Consent | 1 |
Sun Oct 18 00:00:00 EEST 2020 |
Accepted |
Balear 50 % SC
Alias
|
Belgium | Egypt | Waiver | - |
|
Accepted |
Balear 50 % SC
Alias
|
Belgium | Egypt | Waiver | - |
|
Accepted |
Balear 50 % SC
Alias
|
Belgium | Egypt | Consent | 1 |
|
Pending |
Balear 50 % SC
Alias
|
Belgium | Egypt | Waiver | - |
|
Accepted |
Balear 50 % SC
Alias
|
Belgium | Egypt | Consent | 1 |
|
Pending |
Balear 50 % SC
Alias
|
Belgium | Egypt | Waiver | - |
|
Accepted |
Balear 50 % SC
Alias
|
Belgium | Jordan | Consent | 1 |
Mon Dec 04 00:00:00 EET 2023 |
Pending Accepted |
Balear 50 % SC
Alias
|
Belgium | Egypt | Consent | 1 |
|
Pending |
Balear 50 SC
Alias
|
Belgium | Guatemala | Consent | 1 |
|
Closed |
Balear 50 SC
Alias
|
Belgium | Guatemala | Consent | 1 |
Tue Nov 10 00:00:00 EET 2020 |
Accepted |
Balear 50 SC
Alias
|
Belgium | Guatemala | Waiver | - |
|
Accepted |
Balear 50 SC
Alias
|
Belgium | Guatemala | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Kazakhstan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Uzbekistan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Kyrgyzstan | Consent | 1 |
|
Closed |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Kazakhstan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Kyrgyzstan | Consent | 1 |
Mon Nov 02 00:00:00 EET 2020 |
Accepted |
Balear 72 % SC
Alias
|
Belgium | Uzbekistan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Kazakhstan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Kyrgyzstan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Uzbekistan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Kazakhstan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Uzbekistan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Kazakhstan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Guatemala | Consent | 1 |
|
Closed |
Balear 72 % SC
Alias
|
Belgium | Guatemala | Consent | 1 |
Tue Aug 03 00:00:00 EEST 2021 |
Accepted |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Uzbekistan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Waiver | - |
|
Accepted |
Balear 72 % SC
Alias
|
Belgium | Kazakhstan | Consent | 1 |
|
Pending |
Balear 72 % SC
Alias
|
Belgium | Azerbaijan | Consent | 1 |
|
Pending |
The PIC Regulation applies to a specific list of chemical substances, and to mixtures containing such chemicals at a concentration triggering labelling obligations under the CLP Regulation (EC) No 1272/2008, and to articles containing these chemicals in an unreacted form.
Where a chemical listed in Annex I to the PIC Regulation is exported, whether on its own, or in a mixture, or in an article, then there is an obligation to notify prior to the actual export.
Exporters based in an EU Member State must notify the designated national authority of the country from which the export will originate before the first yearly export takes place, as well as before the first export in each subsequent calendar year.
In addition to the notification obligation, the export of chemicals included in parts 2 and 3 of Annex I to the PIC Regulation also require a valid explicit consent from the designated national authority of the importing country outside the EU. Alternatively, the designated national authority of the importing country can provide a waiver to show that explicit consent is not needed.
Details of such explicit consent or waiver requests, and the responses where provided, are presented in this dataset, as follows:
Explicit consents & waivers
The explicit consents & waivers view shows all explicit consent or waiver requests, along with any responses that may have been received. Per request / response what is shown are the identity of the chemical / mixture for which the request is made, the origin and destination countries, whether the request is for an explicit consent or for a waiver, a count of the responses, the response date (where relevant), and the status. Clicking on the identity shown links to more details.
These additional details will show the full set of requests / responses which are related, along with the respective validity dates, details of the foreseen use(s), and the content(s) of the exported material subject to the PIC Regulation. For example, in the case of a mixture if there are three relevant constituents then all three will be shown.
Note relating to Brexit
The United Kingdom withdrew from the European Union (EU) on the 31 January 2020; however, in accordance with the Withdrawal Agreement, EU law continued to apply to that territory until 31 December 2020.
In searching for explicit consents made by the United Kingdom until 31 December 2020, please note that the United Kingdom is listed as an “Exporting Member State”. As of 1 January 2021, a distinction is drawn between the “United Kingdom (Great Britain)” and the “United Kingdom (Northern Ireland)”. This reflects the Protocol on Ireland / Northern Ireland – and the fact that the PIC Regulation continues to apply to Northern Ireland. Specifically, as of 1 January 2021, the “United Kingdom (Great Britain)” is listed as an “Importing Country” for exports from the EU to the United Kingdom. By contrast, the “United Kingdom (Northern Ireland)” is listed as an “Exporting Member State”.
The PIC Regulation applies to a specific list of chemical substances, and to mixtures containing such chemicals at a concentration triggering labelling obligations under the CLP Regulation (EC) No 1272/2008, and to articles containing these chemicals in an unreacted form.
Where a chemical listed in Annex I to the PIC Regulation is exported, whether on its own, or in a mixture, or in an article, then there is an obligation to notify prior to the actual export.
Exporters based in an EU Member State must notify the designated national authority of the country from which the export will originate before the first yearly export takes place, as well as before the first export in each subsequent calendar year.
In addition to the notification obligation, the export of chemicals included in parts 2 and 3 of Annex I to the PIC Regulation also require a valid explicit consent from the designated national authority of the importing country outside the EU. Alternatively, the designated national authority of the importing country can provide a waiver to show that explicit consent is not needed.
Details of such explicit consent or waiver requests, and the responses where provided, are presented in this dataset, as follows:
Explicit consents & waivers
The explicit consents & waivers view shows all explicit consent or waiver requests, along with any responses that may have been received. Per request / response what is shown are the identity of the chemical / mixture for which the request is made, the origin and destination countries, whether the request is for an explicit consent or for a waiver, a count of the responses, the response date (where relevant), and the status. Clicking on the identity shown links to more details.
These additional details will show the full set of requests / responses which are related, along with the respective validity dates, details of the foreseen use(s), and the content(s) of the exported material subject to the PIC Regulation. For example, in the case of a mixture if there are three relevant constituents then all three will be shown.
Note relating to Brexit
The United Kingdom withdrew from the European Union (EU) on the 31 January 2020; however, in accordance with the Withdrawal Agreement, EU law continued to apply to that territory until 31 December 2020.
In searching for explicit consents made by the United Kingdom until 31 December 2020, please note that the United Kingdom is listed as an “Exporting Member State”. As of 1 January 2021, a distinction is drawn between the “United Kingdom (Great Britain)” and the “United Kingdom (Northern Ireland)”. This reflects the Protocol on Ireland / Northern Ireland – and the fact that the PIC Regulation continues to apply to Northern Ireland. Specifically, as of 1 January 2021, the “United Kingdom (Great Britain)” is listed as an “Importing Country” for exports from the EU to the United Kingdom. By contrast, the “United Kingdom (Northern Ireland)” is listed as an “Exporting Member State”.
User Interface
In all data views, if relevant, it is possible to use the following controls:
- Summary – giving informative counts based on the results presented; either the full dataset or a filtered set of search results.
- Search – allowing filtering by various search criteria. Criteria include:
- Explicit consent / Waiver administrative details – search by the identity of the exported material, its type, origin, destination, the date of the request, date of the response, or date of validity where relevant.
- Substance identity – search by any substance identifier of any kind (e.g. EC, CAS, Index number, IUPAC, CAS, or other names, etc.)
- Foreseen use(s) – search by the indicated use of the exported material, Industrial or Pesticide use.
- Multiple search criteria provided will be combined with AND logic, meaning that the search will return results where all of the selected criteria are true.
- Export – allowing the set of results presented to be exported in various formats, XLSX, CSV, or XML.
- Feedback – linking to the appropriate ECHA contact form so questions or comments can be sent to the ECHA helpdesk.
- Help – opening a modal popup window with some information about the data presented and the options to interact with the data.
The Explicit Consents & Waivers data presented below contains an identified 28 872 records relating to Explicit Consents or Waivers sought under the requirements of the PIC Regulation.
The presented records relate to 26 777 Explicit Consents and 2 095 Waivers.
The data below was last updated on 17-svi-2024.